Due to routine maintenance, some of our services may be temporarily unavailable. We apologize for any inconvenience
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In order to use our service, customers are required to register. For registration customers need to provide our business with the following details:
To complete the first registration phase (before CDD/EDD), the customer needs to verify the provided email or mobile number. A table indicating the customer privileges based on the verification stage is provided below.
Registration phase | Can login | Can play | Can deposit | Can withdraw | |
---|---|---|---|---|---|
1 | Registration without email/mobile verification | NO | NO | NO | NO |
2 | Registration with email/mobile verification but not CDD/EDD | YES | YES, but subject to limited number of bets (verification pending) | YES, but limited amount of deposits or total amount of deposits (verification pending) | NO |
3 | Registration with full verification and verification | YES | YES | YES, however it is Subject of EDD procedures based on risk | YES, however it is Subject of EDD procedures based on risk |
Since during registration, the customer is not physically present but rather performs it via the internet, we apply CDD and risk-based EDD. EDD is always required as the customers’ risk level for ML/FT activities is considered high, due to the nature of the service (over the internet non face-to-face transactions).
In most countries, including the country/ies in which this service operates, mobile numbers of a natural person are registered and are associated with the natural person. Verification of the mobile can be considered as a means of CDD, since it is verified by mobile providers.
Upon registrations customers are required to provide additional documents so that their identity can be established/verified. CDD is needed to identify potential money laundering activity. The customer’s profile needs to be updated constantly so any unusual and suspicious activity can be identified and addressed. The identification details that need to be verified so that the customer can be considered as verified are the following:
Verification takes place by making reference to official documents, data or information obtained from a reliable and independent source. For the purposes of verification, a reliable and independent source is considered one of the following: a government authority, department or agency, a regulated utility company or a subject person carrying out relevant financial business in Malta or a member state of the EU. This is because such entities would already have verified the identity and characteristics of the person to be verified by our service.
Thus for the verification of full name, date of birth, identification number and nationality, we consult one of the following documents:
For the verification of the residential address, it is performed by making reference to any of the following documents. The documents must not be more than 6 months old, thus any provided document must specify the date it was issued. The customer’s full name and address must be present and be accurate in all of the listed documents.
Since our customers are not face-to-face and our services are provided over the internet, the ML/FT risk is by default considered to be high and EDD must be applied. However, the extent to which we apply the EDD is determined by the individual customer’s risk level and our risk management procedures. All customers are subjects of EDD. When we apply EDD, we essentially apply extra measures to our customers so that we can have more identification details and minimize the risks of ML/FT. Currently, EDD is performed:
In order to properly address the needs arising from EDD, we apply one or more of the following measures:
A PEP is defined as a natural person who is or has been entrusted with prominent public functions. Close family members or persons known to be close associates of such persons (PEPs) are also considered as PEPs in the eyes of the law. Close family members include:
PEPs are considered a high risk in regards to ML/FT because of their position which makes them vulnerable to bribery via funds that originate from illegal activities. Based on that, we apply extra EDD measures in relation to PEPs. These are:
To identify PEPs we consult the available PEP lists available in the countries of our operation. In case that the details of a customer potentially show that the subject customer is a public figure or a relative of one, we contact the customer and we apply EDD as described above.
Due to routine maintenance, some of our services may be temporarily unavailable. We apologize for any inconvenience